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2024 (7) TMI 282 - AT - Income Tax


Issues:
Challenging order of Commissioner of Income Tax (Appeals) under Income Tax Act for A.Y. 2016-17 and 2017-18.

Analysis:
The Revenue challenged the order allowing the assessee to withdraw the appeal against the order u/s. 143(3) r.w.s. 263 of the Act, claiming that the ld. CIT(A) erred in not deciding the appeal on its merits. The assessee, a Singapore resident investing in the Indian capital market, filed its return declaring income and losses, carrying forward losses u/s. 74 of the Act. The ld. PCIT invoked revisionary powers u/s. 263, questioning the treatment of capital gains under the DTAA and carry forward of losses. The Tribunal quashed the revisionary order, leading the ld. CIT(A) to dismiss the appeal as infructuous, a decision challenged by the Revenue.

The Revenue contended that the ld. CIT(A) lacked power to allow appeal withdrawal without deciding on merits, citing legal precedents. The ld. AR opposed, arguing that the order was not a withdrawal but based on the quashing of the section 263 order. The ld. CIT(A) discussed his powers under section 251 of the Act, emphasizing the need to decide on appeal merits, not allowing withdrawal without merit consideration. Relying on legal decisions, the ld. CIT(A) concluded that since the revisionary order was quashed, the consequential order would not survive, rejecting the Revenue's objections.

In ITA No. 1698/Mum/2024, identical facts led to the same conclusion as in ITA No. 1711/Mum/2024. The Tribunal dismissed both appeals filed by the Revenue based on the above analysis. The decision was pronounced on 03.07.2024 in open court.

This detailed analysis covers the issues involved in the legal judgment, highlighting the arguments presented by both parties and the Tribunal's reasoning in dismissing the Revenue's appeals.

 

 

 

 

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